`
`EXHIBIT
`1010
`
`1010
`
`
`
`UNITED STATES PATENT AND TRADEMARK OFFICE
`
`BEFORE THE PATENT TRIAL AND APPEAL BOARD
`
`TALARI NETWORKS, INC.
`Petitioner
`
`V.
`
`FATPIPE NETWORKS INDIA LIMITED,
`Patent Owner
`
`Inter Partes Review Case No. 2016-00976
`
`PETITION FOR INTER PARTES REVIEW OF U.S. PATENT NO. 6,775,235
`
`UNDER 35 U.S.C. §§ 311-319 AND 37 C.F.R. § 42.100
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`Viptela, Inc. - Exhibit 1010
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`Page 1
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`Viptela, Inc. - Exhibit 1010
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`TABLE OF CONTENTS
`
`MANDATORY NOTICES .......................................................................... .. 1
`
`A.
`B.
`C.
`
`D.
`E.
`F.
`
`Real Party-In-Interest (37 C.F.R. § 42.8(b)(1)) ................................. .. 1
`Related Matters (37 C.F.R. § 42.8(b)(2)) ........................................... .. 1
`Lead and Backup Counsel (37 C.F.R. § 42.8(b)(3) and
`42.10(a)) ............................................................................................. .. 2
`Service Information (37 C.F.R. § 42.8(b)(4)) .................................... .. 2
`Payment of Fees (37 C.F.R. §§ 42.15(a) and 42.103(a)) .................. .. 2
`Standing (37 C.F.R. § 42.104(a)) ....................................................... .. 3
`
`OVERVIEW OF CHALLENGE AND RELIEF REQUESTED ................. .. 3
`A.
`Publications Relied Upon ................................................................... .. 3
`B.
`Grounds For Challenge ...................................................................... .. 4
`
`III.
`
`RELEVANT INFORMATION CONCERNING THE CONTESTED
`
`PATENT ....................................................................................................... .. 4
`
`A.
`B.
`
`C.
`
`Effective Filing Date of the ’235 Patent ............................................ .. 4
`The ’235 Patent (Ex. 1001) ................................................................ .. 5
`1.
`Overview of the ’235 Patent .................................................... .. 5
`
`Prosecution History .................................................................. .. 6
`2.
`Claim Construction ............................................................................ .. 6
`
`1.
`2.
`
`Level of Ordinary Skill in the Art ............................................ .. 6
`Patent Owner’s Proposed Constructions .................................. .. 7
`
`IV.
`
`SUMMARY OF PRIOR ART AND REFERENCES RELIED ON ............ .. 9
`
`A.
`B.
`
`Brief Summary of Karol (Ex. 1006) .................................................. .. 9
`Brief Summary of Stallings (Ex. 1011) ............................................ .. 10
`
`A REASONABLE LIKELIHOOD EXISTS THAT THE
`
`CHALLENGED CLAIMS ARE UNPATENTABLE ............................... .. 10
`
`A.
`
`Ground 1: Claims 4, 5, 7-11, 14, and 19 of the ’235 Patent
`
`B.
`
`C.
`
`(Ex. 1001) are anticipated by Karol (Ex. 1006) ............................... .. 10
`Ground 2: Claims 5, 11-15, and 19 of the ’235 Patent are
`obvious over Karol (Ex. 1006) in View of Stallings (Ex. 1011) ...... .. 30
`Ground 3: Claims 4, 5, 7-15, and 19 of the ’235 Patent (Ex.
`1001) are obvious over Karol (Ex. 1006) ......................................... .. 42
`
`VI.
`
`CONCLUSION ........................................................................................... .. 60
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`-1-
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`Viptela, Inc. - Exhibit 1010
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`Page 2
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`Viptela, Inc. - Exhibit 1010
`Page 2
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`TABLE OF AUTHORITIES
`
`CASES
`
`Page(s)
`
`Amazon.com, Inc. v. Barnesandn0ble.c0m, Inc.,
`239 F.3d 1343 (Fed. Cir. 2001) .......................................................................... ..8
`
`KSR v. Teleflex,
`550 U.S. 398 (2007) ................................................................................... ..passim
`
`In re Translogic Tech., Inc.,
`504 F.3d 1249 (Fed. Cir. 2007) .......................................................................... ..7
`
`In re Zletz,
`13 USPQ2d 1320 (Fed. Cir. 1989) ..................................................................... ..8
`
`REGULATIONS
`
`37 C.F.R. § 42.8 ................................................................................................... ..1, 2
`
`37 C.F.R. § 42.15 ..................................................................................................... ..2
`
`37 C.F.R. § 42.100 ............................................................................................... ..1, 7
`
`37 C.F.R. § 42.103 ................................................................................................... ..2
`
`37 C.F.R. § 42.104 ................................................................................................... ..3
`
`STATUTES
`
`35 U.S.C. § 101 ........................................................................................................ ..7
`
`35 U.S.C. § 102 .................................................................................... ..3, 4, 9, 10, 49
`
`35 U.S.C. § 103 ........................................................................................................ ..4
`
`35 U.S.C. § 112 ........................................................................................................ ..7
`
`35 U.S.C. §§ 311-319 ........................................................................................ ..1,60
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`OTHER AUTHORITIES
`
`Manual of Patent Examining Procedure § 2143 (9th ed., 2015) .................... ..passim
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`Viptela, Inc. - Exhibit 1010
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`Page 3
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`Viptela, Inc. - Exhibit 1010
`Page 3
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`PETITIONER’S EXHIBITS
`
`1001
`
`1002
`
`1003
`
`1004
`
`1005
`
`1006
`
`1009
`
`1010
`1011
`
`1012
`1013
`1014
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`1015
`
`101 6
`
`U.S. Patent No. 6,775,235 by Sanchaita Datta and Ragula Bhaskar
`entitled “Tools and Techniques for Directing Packets Over
`Disarate Networks” “the ’235 Patent”
`
`File History for U.S. Patent No. 6,775,235
`U.S. Patent No. 7,406,048 by Sanchaita Datta and Ragula Bhaskar
`entitled “Tools and Techniques for Directing Packets Over
`Disarate Networks” “the ’048 Patent”
`
`File Histo
`
`for U.S. Patent No. 7,406,048
`
`Declaration of Dr. Kevin Ne ; s
`
`U.S. Patent No. 6,628,617 by Mark John Karol and Malathi
`Veeraraghavan entitled “Technique for Internetworking Traffic on
`Connectionless and Connection-Oriented Networks”
`
`W.R. Stevens, “TCP/IP Illustrated Volume 1, the Protocols,”
`Addison-Wesley Professional Computing Series, 1994, ISBN-0-
`201-63346-9 (“Stevens”).
`February 1, 2016 Order granting Motion to Transfer to the Western
`Division of the Eastern District of North Carolina, D.I. 57 in 6:15-
`cv-00458-RWS in the Eastern District of Texas
`
`U.S. Patent No. 6,748,439 by David R. Monachello et al. entitled
`“System and Method for Selecting Internet Service Providers from a
`Workstation that is Connected to a Local Area Network”
`
`(“Monachello”)
`FatPi e’s Infrinement Contentions
`William Stallings, “Data and Computer Communications,” Prentice-
`Hall, 5th Edition, 1997, ISBN-81-203-1240-6, “Stallin s”
`
`Office Action dated 4/13/2012 for U.S. Application No. 10/034,197
`Office Action dated 2/2/2012 for U.S. Application No. 10/034,197
`FatPi e’s Pro osed Modifications to Claim Construction
`
`Adaptive Private Networking Configuration Editor User’s Guide,
`APNware Release 2.5 FATPIPE-001374-1448
`
`-iii-
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`Viptela, Inc. - Exhibit 1010
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`Page 4
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`Viptela, Inc. - Exhibit 1010
`Page 4
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
`
`Pursuant to 35 U.S.C. §§ 311-319 and 37 C.F.R. §§ 42.100 et seq., Talari
`
`Networks, Inc. (“Petitioner”) hereby respectfully requests inter partes review of
`
`claims 4, 5, 7-15, and 19 (“Challenged Claims”) of U.S. Patent No. 6,775,235 (Ex.
`
`1001; “the ’235 Patent”) which issued on August 10, 2004. As explained in this
`
`Petition, there exists a reasonable likelihood that Petitioner will prevail with
`
`respect to at least one of the Challenged Claims. The Challenged Claims are
`
`unpatentable over the prior art publications identified and applied in this Petition.
`
`I.
`
`MANDATORY NOTICES
`
`Pursuant to 37 C.F.R. § 42.8, Petitioner provides the following disclosures:
`
`A.
`
`Real Party-In-Interest (37 C.F.R. § 42.8(b)(1))
`
`Petitioner, Talari Networks, Inc., located at l Almaden Blvd., Suite 200, San
`
`Jose, California 95113, is the real party-in-interest for the instant petition.
`
`B.
`
`Related Matters (37 C.F.R. § 42.8(b)(2))
`
`The ’235 Patent is currently involved in a pending lawsuit involving
`
`Petitioner originally captioned FatPipe, Inc. v. Talari Networks, Inc., United States
`
`District Court For the Eastern District Of Texas, Case No. 6: 15-CV-458. On
`
`February 2, 2016, the United States District Court for the Eastern District of Texas
`
`ordered the case to be to be transferred to the Western Division of the United
`
`States District Court for the Eastern District of North Carolina, Case No. 5:16-CV-
`
`54-BO (“the District Court Litigation”). (Ex. 1008.)
`
`-1-
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`Viptela, Inc. - Exhibit 1010
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`Page 5
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`Viptela, Inc. - Exhibit 1010
`Page 5
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`FatPipe, Inc. is also asserting U.S. Patent No. 7,406,048 (Ex. 1003; “the
`
`’048 Patent”) in the District Court Litigation against Petitioner. A separate IPR
`
`petition has been filed by Petitioner with respect to the ’048 Patent. Petitioner
`
`requests that both Petitions be assigned to the same Board for administrative
`
`efficiency, as that patent is directed generally to the same subject matter.
`
`Lead and Backup Counsel (37 C.F.R. § 42.8(b)(3) and 42.10(a))
`C.
`
`
`Lead Counsel:
`Andy H. Chan (Reg. No. 56,893)
`Email: chana@pepperlaw.com
`
`Backup Counsel:
`Charles F. Koch (Reg. No. 58,669)
`Email: kochc@pepperlaw.com
`
`Postal/Hand Delivery Address:
`Pepper Hamilton LLP
`333 Twin Dolphin Dr., Suite 400
`Redwood City, CA 94065
`
`Tel.: 650.802.3600
`Fax: 650.802.3650
`
`Thomas F. Fitzpatrick (pro hac vice
`to be filed)
`Email: fitzpatrickt@pepperlaw.com
`
`Postal/Hand Deliveg Address:
`Pepper Hamilton LLP
`333 Twin Dolphin Dr., Suite 400
`Redwood City, CA 94065
`
`Tel.: 650.802.3600
`
`Fax: 650.802.3650
`
`D.
`
`Service Information (37 C.F.R. § 42.8(b)(4))
`
`Service on Petitioner may be made by email, mail or hand delivery at the
`
`addresses shown above.
`
`E.
`
`Payment of Fees (37 C.F.R. §§ 42.l5(a) and 42.103(a))
`
`The Office is authorized to charge the fees specified by 37 C.F.R.
`
`§§ 42. l03(a) and 42.l5(a) to Deposit Account No. 500436 as well as any
`
`-2-
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`Page 6
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`Viptela, Inc. - Exhibit 1010
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`additional fees that might be due in connection with this Petition.
`
`F.
`
`Standing (37 C.F.R. § 42.104(a))
`
`Petitioner certifies that the patent sought for review is eligible for inter
`
`partes review and that Petitioner is not barred or estopped from requesting an inter
`
`partes review challenging the patent claims on the grounds identified herein.
`
`II.
`
`OVERVIEW OF CHALLENGE AND RELIEF REQUESTED
`
`Pursuant to C.F.R. § 42.l04(b), Petitioner requests inter partes review of
`
`claims 4, 5, 7-15, and 19 of the ’235 Patent to Sanchaita Datta and Ragula Bhaskar,
`
`titled “Tool and Techniques for Directing Packets over Disparate Networks” (Ex.
`
`1001) on the grounds set forth below and requests that each of the Challenged
`
`Claims be found unpatentable. An explanation of unpatentability is provided in the
`
`detailed description that follows, which indicates where each element can be found
`
`in the cited prior art, and the relevance of that prior art. Additional explanation and
`
`support for each ground of unpatentability is set forth in Exhibit 1005, the
`
`Declaration of Dr. Kevin Negus, referenced throughout this Petition.
`
`A.
`
`Publications Relied Upon
`
`Exhibit 1006 — U.S. Patent No. 6,628,617 to Karol et al., “Technique for
`
`Intemetworking Traffic on Connectionless and Connection-Oriented Networks,”
`
`(“Karol”) filed on March 3, 1999 and issued as a U.S. Patent on September 30,
`
`2003. Karol is prior art under at least 35 U.S.C. § 102(e) because it was filed on
`
`-3-
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`Viptela, Inc. - Exhibit 1010
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`Page 7
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`Viptela, Inc. - Exhibit 1010
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`March 3, 1999, which is before the earliest priority date of the ’235 Patent.
`
`Exhibit 1011 — Data and Computer Communications by William Stallings,
`
`Prentice-Hall, 5th Edition, 1997, ISBN-81-203-1240-6, (“Stallings”). Stallings is
`
`prior art under at least 35 U.S.C. § 102(b) because it was published in 1997 more
`
`than one year before the earliest priority date of the ’235 Patent. (See, e.g., Ex.
`
`1011 at inside cover page.) Stallings was known to the inventors of Karol as Karol
`
`cites to Stallings in the specification. (Ex. 1006 at 12:63-64.)
`
`B.
`
`Grounds For Challenge
`
`Petitioner requests cancellation of claims 4, 5, 7-15, and 19 of the ’235
`
`Patent on the following grounds:
`
`(i)
`
`Claims 4, 5, 7-11, 14, and 19 of the ’235 Patent are anticipated under
`
`35 U.S.C. § 102 by Karol (Ex. 1006).
`
`(ii)
`
`Claims 5, 11-15, and 19 of the ’235 Patent are obvious under 35
`
`U.S.C. § 103 based on Karol (Ex. 1006) in view of Stallings (Ex. 1011).
`
`(iii) Claims 4, 5, 7-15, and 19 of the ’235 Patent are obvious under 35
`
`U.S.C. § 103 based on Karol (Ex. 1006).
`
`III. RELEVANT INFORMATION CONCERNING THE CONTESTED
`
`PATENT
`
`A.
`
`Effective Filing Date of the ’235 Patent
`
`The ’235 Patent references two provisional applications. Provisional
`
`application No. 60/259,269 was filed on December 29, 2000, and Provisional
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`-4-
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`U.S. Patent No. 6,775,235
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`application No. 60/355, 509 was filed on February 8, 2002. Patent Owner (“PO”)
`
`contends “claims 4 and 19 of the ’235 Patent are believed to be entitled to a
`
`priority date of December 29, 2000.” (Ex. 1010 at 3.) PO also contends “[c]laims
`
`5 and 7-15 of the ’235 [P]atent
`
`are believed to be entitled to a priority date of
`
`February 8, 2002. (Id.) While Petitioner disagrees with P0 regarding the priority
`
`dates of the claims, all of the asserted prior art in this Petition precedes the earliest
`
`alleged priority date — December 29, 2000.
`
`B.
`
`The ’235 Patent (Ex. 1001)
`
`1.
`
`Overview of the ’235 Patent
`
`The ’235 Patent is directed “to computer network data transmission, and
`
`more particularly relates to tools and techniques for communications using
`
`disparate parallel networks....” (EX. 1001 at 1:17-24, 1:56-60, 2:19-26; Ex. 1005
`
`at 111] 46, 49.) The ’235 Patent specification teaches that it was well known in the
`
`prior art to: have a frame relay network configured in parallel with a VPN or other
`
`Intemet-based network that is disparate to the frame relay network (see, e.g., Ex.
`
`1001 at 5:24-27; Ex. 1005 at 111] 50, 51, 113, 114); use a disparate network for
`
`reliability/redundancy (see, e.g., Ex. 1001 at 4:25-27 and FIG. 5; Ex. 1005 at 1111 52,
`
`58, 116-118); use a disparate network for load-balancing (see, e.g., Ex. 1001 at
`
`9:4-9; Ex. 1005 at 111] 59, 119); and that secure routing paths were used to route to
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`“Intemet-based communication solutions such as VPNs and Secure Sockets Layer
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`U.S. Patent No. 6,775,235
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`(SSL).” (See, e.g., Ex. 1001 at 45-10; Ex. 1005 at 1111 60, 115.)
`
`2.
`
`Prosecution History
`
`The application leading to the ’235 Patent was filed on February 7, 2003,
`
`and is a continuation-in-part of application number 10/034,197 filed on
`
`December 28, 2001 (“the ’197 Application”). (Ex. 1001 at cover.) The ’197
`
`Application was abandoned on April 13, 2012 (Ex. 1012) after the Board on appeal
`
`affirmed the Examiner’s rejection of the claims (Ex. 1013). During prosecution of
`
`the application leading to the ’235 Patent, the first Office Action mailed
`
`February 25, 2004 rejected claims 1-4, 8-10, 23-26, 28, 29, and 32 as invalid over
`
`U.S. Patent No. 6,016,307 to Kaplan et al. (Ex. 1002 at 367-373.) The Examiner
`
`allowed claims 11-22, 30, 31, and 33-35 which recited “per-packet selection”
`
`and/or “accessing the multiple parallel disparate networks using at least two known
`
`location address ranges.” (Ex. 1002 at 373-377.) The rejected claims were
`
`canceled, and the remaining allowed claims were accepted. (Ex. 1002 at 384-392;
`
`see also, Ex. 1004.) As explained in detail below in Section V, these supposed
`
`distinctions from the prior art were widely used and disclosed in the prior art.
`
`C.
`
`Claim Construction
`
`1.
`
`Level of Ordinary Skill in the Art
`
`A person of ordinary skill in the art at the time of the filing date of the ’235
`
`Patent (“POSITA”) would have had at least a Bachelor of Science in Computer
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`Page 10
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`Science, Computer Engineering, Electrical Engineering, or an equivalent field as
`
`well as at least two years of academic or industry experience in any type of
`
`networking field. (Ex. 1005 at 1] 30.)
`
`2.
`
`Patent Owner’s Proposed Constructions
`
`The claim terms of the ’235 Patent should be given their broadest reasonable
`
`interpretation in light of the specification. See 37 C.F.R. § 42.l00(b). Petitioner
`
`submits that no construction is necessary and that all claim terms of the ‘235 Patent
`
`should be given their ordinary and customary meaning, as understood by a
`
`POSITA in the context of the entire disclosure. See In re Translogic Tech., Inc.,
`
`504 F.3d 1249, 1257 (Fed. Cir. 2007). Petitioner does not concede that any
`
`Challenged Claim meets statutory standards for patent claiming. Petitioner
`
`recognizes that IPR does not address issues, such as those under 35 U.S.C. §§ 101
`
`and 112, and therefore, Petitioner reserves all rights to raise such issues in the
`
`District Court Litigation. In the District Court Litigation, PO proposed the
`
`following constructions in Ex. 1014:
`
`
`
`“a communication path that is unavailable to
`the general public”
`
`“private network”
`
`“Internet based network”
`
`“a communication path that is available on the
`public Internet”
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`U.S. Patent No. 6,775,235
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`“disparate networks”
`
`“networks that are different in kind, e. g. a
`private network and an Internet based
`networ ”
`
`“per-packet basis”
`
`“packet by packet”
`
`“per-session basis”
`
`“session by session”
`
`“packet path selector”
`
`“module(s) that selects which path to send a
`given packet on”
`
`“repeated instances of the
`selecting step make network
`path selections”
`
`“parallel network”
`
`“more than one occurrence of selecting a
`network pat ”
`
`“at least two networks configured to allow
`alternate data paths”
`
`“an active communications connection,
`measured from beginning to end, between
`computers or applications over a networ ”
`
`For this IPR, Petitioner submits that none of these terms need construction.
`
`To the extent the Board determines that any of these terms require construction for
`
`purposes of this IPR, a POSITA would understand PO’s constructions to be within
`
`the broadest reasonable interpretation. (See, e.g., Ex. 1005 at 111] 72-80.) See
`
`Amazon.com, Inc. v. Barnesandnoblacom, Inc., 239 F.3d 1343, 1351 (Fed. Cir.
`
`2001) (“A patent may not, like a ‘nose of wax,’ be twisted one way to avoid
`
`anticipation and another to f1ndinfringement.”). Because the standards of claim
`
`interpretation in litigation differ from PTO proceedings, any interpretation of claim
`
`terms here is not binding upon Petitioner in any litigation related to the ’235
`
`Patent. See In re Zletz, 13 USPQ2d 1320, 1322 (Fed. Cir. 1989).
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`Page 12
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`IV.
`
`SUMMARY OF PRIOR ART AND REFERENCES RELIED ON
`
`The ’235 Patent discloses nothing more than what was well-known in the art
`
`prior to the filing of the application which led to the ’235 Patent. None of the prior
`
`art discussed below was considered by the Patent Office during prosecution of the
`
`’235 Patent. These prior art references are directed to the same field as the ’235
`
`Patent (data networking) and operate using the same architecture as the ’235 Patent
`
`(routing to parallel disparate networks). (Ex. 1005 at 111] 83, 85, 86.) No secondary
`
`considerations support a finding of nonobviousness.
`
`A.
`
`Brief Summary of Karol (Ex. 1006)
`
`Karol is prior art under at least 35 U.S.C. § l02(e). (See supra at § II(A).)
`
`Karol is directed towards parallel “internetworking of connectionless (e. g. Internet
`
`Protocol or “IP”) and connection oriented (e.g., ATM, MPLS, RSVP) networks.”
`
`(See, e.g., Ex. 1006 at 1:7-14, 1:19-20, Fig. 1; Ex. 1005 at W 85-88, 90.)
`
`To route data between the connection oriented and connectionless networks,
`
`Karol discloses a “gateway” that can operate in either serial or parallel modes.
`
`(Ex. 1006 at 3:5 8-66; Ex. 1005 at 1] 90.) The gateway can make a routing selection
`
`between the connection oriented or connectionless network based on specific
`
`criteria, such as “maximizing efficiency.” (Ex. 1006 at 3:58-66; Ex. 1005 at 1] 92.)
`
`For routing, Karol discloses routing tables in databases:
`
`the CL network uses the
`
`forwarding database, and the CO network uses the flow database. (See, e.g., Ex.
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`Petition for Inter Partes Review
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`U.S. Patent No. 6,775,235
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`1006 at 7:31-54 and FIG. 4; Ex. 1005 at 1111 94-98.) Karol discloses criteria for
`
`selecting between networks, for example, by adjusting link weights in the routing
`
`protocol to divert connections away from congested links, which reflects
`
`bandwidth availability. (See, e.g., Ex. 1006 at 17:63-18:2; Ex. 1005 at 11 111.)
`
`B.
`
`Brief Summary of Stallings (Ex. 1011)
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`Stallings is prior art under at least 35 U.S.C. § 102(b). (See supra at §
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`II(A).) The public availability and publication date of Stallings is further
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`corroborated by Karol, which cites the reference within the specification. (Ex.
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`1006 at 12:63-64.) Stallings has a copyright date of 1997, which is more than a
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`year before the ’235 Patent’s earliest effective priority date of December 2, 2000.
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`(See, e.g., Ex. 1011 at inside cover page.) Stallings describes “ATM,” “Frame
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`Relay,” “Packet Switching (Routing),” “Network Security,” frame relay, IP
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`protocol, among other data and computer communications topics. (See, e.g., Ex.
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`1011 at 24-26; Ex. 1005 at 111] 128-139.)
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`V.
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`A REASONABLE LIKELIHOOD EXISTS THAT THE
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`CHALLENGED CLAIMS ARE UNPATENTABLE
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`A.
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`Ground 1: Claims 4, 5, 7-11, 14, and 19 of the ’235 Patent
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`(Ex. 1001) are anticipated by Karol (Ex. 1006)
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`Claim 4[a]: “A controller which controls access to multiple networks in a
`parallel network configuration, suitable networks comprising Internet-based
`networks andprivate networks from at least one more provider, in combination,
`the controller comprising:”
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`Karol discloses “A controller” which controls access to multiple networks in
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`a parallel configuration:
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`the “CL-CO gateway” alone or in combination with one
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`or more routers and/or switches controls access to either a “connectionless” (or
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`“CL”) network data path or to a “connection oriented” (or “CO”) network data
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`path that are configured in parallel. (See Ex. 1006 at l:7-l6, Fig. 1; Ex. 1005 at 111]
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`154-157.) “The CL network is typically, although not necessarily, an IP network.”
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`(Ex. 1006 at 2:58-59; Ex. 1005 at 1] 155.) In parallel with the CL network, the CO
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`network is a private network that “can be an MPLS ...” or “telephony network. . . .”
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`(Ex. 1006 at 2:52-58; Ex. 1005 at 1] 155.) PO has identified MPLS as a private,
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`parallel, disparate network. (Ex. 1010 at Appendix I at 1; and Ex. 1005 at 111] 159-
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`160.) Karol discloses the CL-CO “garallel configuration could occur, for
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`example, if two service groviders, one with an IP-router-based network and the
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`other with a CO-switch-based network, offer enterprises ‘long-distance’
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`connectivity. ...” (emphasis added) (Ex. 1006 at 3:47-51; Ex. 1005 at 1] 157.)
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`Thus, Karol discloses a “controller” (e.g., either of the CL-CO gateway or
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`the combination of the CL-CO gateway with one or more routers and/or switches)
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`that “controls access to multiple networks in a parallel network configuration in
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`combination” (e.g., the CL or CO network) and multiple networks are chosen from
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`“suitable networks comprising Internet-based networks and private networks from
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`at least one more provider” (e.g., the CL path is based on Internet protocol service
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`from a first service provider and the CO path is based on ATM or MPLS protocol
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`service from a second service provider). (Ex. 1005 at 1] 158 and 111] 159-161.)
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`Claim 4[b]: “a site interface connecting the controller to a site;”
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`Considering the “controller” to be the CL-CO gateway alone, then the “site”
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`in Karol is either the routers/switches connected to the CL-CO gateway and/or the
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`source 101 and/or destination 151 endpoints. (Ex. 1005 at 11 173; Ex. 1006 at 3:44-
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`51, 4:36-44, 4:65-67, and Fig. 1.) The “site interface” in Karol is one or more of
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`the input line cards 401 or a network connection — shown in Fig. 1 as an
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`“interface” between source 101 and node 111. (Ex. 1005 at 111] 170-174; Ex. 1006
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`at 3:44-51, 4:36-44, 4:65-67, 6:44-50 and Figs. 1 and 4.)
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`Considering the “controller” to be the CL-CO gateway in combination with
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`one or more routers and/or switches, then the “site” in Karol is the source 101
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`and/or destination 151 endpoints. (Ex. 1005 at 1] 173; Ex. 1006 at 3:44-51, 4:36-
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`44, 4:65-67, and Fig. 1.) The “site interface” is a network connection. (Ex. 1005
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`at 111] 170-174; Ex. 1006 at 3:44-51, 4:36-44, 4:65-67, 6:44-50 and Figs. 1 and 4.)
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`Claim 4[c]: “at least two network interfaces which send packets toward the
`networks; and”
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`Karol discloses that at least two “output line cards 402” are utilized to
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`“receive datagrams from either of’ the “CO switch 410 or CL router/switch 420”
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`and then “direct them to external networks” as further illustrated in and described
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`with respect to FIG. 4 of Karol. (See, e.g. Ex. 1005 at 1111 94-97, 171, 176; Ex.
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`1006 at 3:58-66, 4:45-65, 6:44-50, Figs.1 and 4.) FIG. 4 discloses at least two such
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`“output line cards” that send packets over network interfaces to the two respective
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`CL and CO networks. (Ex. 1006 at 4:36-67, FIG. 1, and FIG. 4; Ex. 1005 at 1]
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`176.) Alternatively, the combination of the CL-CO gateway and one or more
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`routers and/or switches shown in FIG. 1 also depicts at least two “network
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`interfaces” to both of the CL network and the CO network that are depicted as
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`exemplary router “node 121” and exemplary CO switching element “node 161 .”
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`(Ex. 1006 at 3:58-66, 4:45-65, and FIG. 1; Ex. 1005 at 1111 156, 177.)
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`Thus, Karol discloses a “controller” (e.g., the CL-CO gateway) with at least
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`two “network interfaces” (e.g., the output line cards coupling the CL router to the
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`CL network and the CO switch to the CO network), which “send packets toward”
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`the “networks” (e.g., the CL and CO networks). Alternatively, Karol discloses a
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`“controller” (e.g., the CL-CO gateway in combination with one or more routers
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`and/or switches) having at least two “network interfaces” (e.g., the network
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`connections to respective CL and CO networks), which “send packets toward” the
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`“networks” (e.g., the CL and CO networks). (Ex. 1005 at 111] 178-179.)
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`Claim 4[d]: “a packet path selector which selects between network interfaces on
`a per-packet basis according to at least: a destination of the packet, an optional
`presence ofalternate paths to that destination, and at least one specified criterion
`for selecting between alternate paths when such alternate paths are present;”
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`Karol discloses a “packet path selector” including at least a “gateway
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`processor,” a “CL router/switch,” a “CO switch,” a “packet buffer,” a “protocol
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`converter,” and one or more “input line cards” that together determine if a
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`particular packet (or “datagram,” which is a term used by Karol interchangeably
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`with the term “packet” (e.g., Ex. 1006 at 5:23-25)) from a “source endpoint”
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`should be forwarded to either the CL or CO network based on multiple criteria
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`including whether the CO network has a valid connection for the particular packet
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`as further illustrated in and described with respect to Figure 4 of Karol. (Ex. 1005
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`at 1111 94-97, 181-187; Ex. 1006 at 6:31-50 and FIG. 4.)
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`The “packet-pat ” selector of Karol selects between network interfaces
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`associated with a CO and CL network on a per packet basis: “datagrams received
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`in input line cards 401 can be directed either to CO switch 410 or CL router/switch
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`420” so that “output line cards 402 can receive datagrams from either of the last
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`mentioned elements and direct them to external networks.” (Ex. 1005 at 1111 94-97,
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`182-183; Ex. 1006 at 6:44-50 and FIG. 4.) To route the packets to a destination of
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`the packet, Karol discloses a “forwarding database 432” within the gateway
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`processor to determine if a particular packet matches a combination of
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`“Destination IP address; Next hop router; Outgoing port (interface)” that would
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`cause such a packet to be routed to the CL network or to be considered for routing
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`over the CO network. (Ex. 1006 at 7:36-41; Ex. 1005 at 1] 183.)
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`For packets that are candidates for the CO network, Karol also discloses that
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`each such packet is compared at the gateway processor with the “flow database
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`433” to determine if a particular packet matches a desired combination of “(a) an
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`outgoing port field, which indicates the port on which a datagram whose entries
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`match a particular record’s entries is forwarded; (b) if the outgoing port is
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`‘invalid,’ the next field ‘forward or hold’[] entry indicates whether packet should
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`be forwarded or held in packet buffer 440; (c) destination address; ((1) source
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`address; (e) source port; (f) destination port; (g) type of service; (h) protocol field;
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`(i) TCP Flags; (j) outgoing port; (k) forward or hold flag, and (1) a mask which
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`indicates which of the data entries is applicable to the particular recor ” in order to
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`route such a packet to the CO network instead of the CL network depending on
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`availability of a valid connection in the CO network for a flow associated with the
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`particular packet. (Ex. 1006 at 7:42-54, 7:60-8:2; EX. 1005 at 111] 184, 185.)
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`Karol discloses routing selections between the CL and CO networks are
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`based at least upon “bandwidth availability” that can be “dynamically allocated to
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`flows on an as-needed basis” and can “divert[] connections away from congested
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`links.” (Ex. 1006 at 17:18-26 and 17:63-18:2; Ex. 1005 at 1] 186.)
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`Thus, Karol discloses a “packet path selector” (e.g., the structural elements
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`depicted in FIG. 4 of Ex. 1005 at 1] 182) that “selects between network interfaces
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`on a per-packet basis” (e. g. , packet path selector compares information in each
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`packet received at the CL-CO gateway to determine if the packet will be routed to
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`the CL or CO network interface output line card) according to at least “a
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`destination of the packet” (e.g., gateway processor in the CL-CO gateway
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`compares the destination address of each received packet to fields in both the
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`forwarding and flow databases), “an optional presence of alternate paths to that
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`destination” (e. g. , the gateway processor will only forward a particular packet to
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`the CO network when a valid connection exists for the flow associated with the
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`particular packet), and “at least one specified criterion for selecting between
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`alternate paths when such alternate paths are present” (e.g. , based upon the needs
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`of a particular flow or to avoid congested links). (Ex. 1005 at 111] 187-189.)
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`Claim 4[e]: “wherein the controller receives a packet through the site interface
`and sends the packet through the network interface that was selected by the
`packet path selector.”
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`If the “controller” is the CL-CO g